Presentation is loading. Please wait.

Presentation is loading. Please wait.

Proposal for Management of gas emitted from REESS 13-15 May, 2014 U.S. DOT Head Quarter 1200 New Jersey Avenue, SE Washington, DG 20590 JASIC 1.

Similar presentations


Presentation on theme: "Proposal for Management of gas emitted from REESS 13-15 May, 2014 U.S. DOT Head Quarter 1200 New Jersey Avenue, SE Washington, DG 20590 JASIC 1."— Presentation transcript:

1 Proposal for Management of gas emitted from REESS 13-15 May, 2014 U.S. DOT Head Quarter 1200 New Jersey Avenue, SE Washington, DG 20590 JASIC 1

2 Action item 17. Japan will propose texts with justification for three items 5.X 12, 5.X 13, 5.X 14 with support from OICA by next meeting. 5.X 12 Emission 5.X 13 Management of gas from venting mechanism of the battery cell 5.X 14 Emission of hazardous gases and other hazardous substances 2

3 Consideration for Vent Gas Management 1. Hydrogen emissions: Certain requirements for hydrogen emissions from open-type battery currently exist in UN R100. However, the use of open- type batteries as a REESS will not be expected to expand in the future for globally marketed products. Therefore, no specific test procedure is developed in this GTR as the benefit of establishing a globally harmonized requirement is rather limited, while the Contracting Parties concerned may continue to apply its existing requirements for such technologies. 2. According to the current state of the art, the most of lithium-ion battery cells have certain venting mechanisms to preclude rupture or explosion in the event of faulty conditions. Since the venting gas from the cell might have toxicity or flammability, the passengers in the passenger compartment should be protected against risk of such venting gas. 3

4 Consideration for Vent Gas Management 3. On the other hand, sealed-type batteries using water-based electrolyte, such as NiMH batteries or so-called “maintenance-free” lead acid batteries, may have a pressure adjust valve which controls the internal pressure and will reseal after the excess pressure is released. In such water-based electrolyte, the gases released from the pressure adjust valve will not cause significant risk to the occupants as the emitted gases are not toxic, and the amount of the gases is relatively small in general. However, proper management of the gases should be considered due to the flammability of such gases. 4

5 Draft Proposal for Management of gas emitted from REESS Insert a new paragraph 5.1.X. (as part of “in-use” requirement), to read; 5.1.X.Management of the gases emitted from REESS To prevent explosion, fire or toxicity hazards, vehicle manufacturer shall ensure that no danger of hazardous gases emitted from REESS in the passenger compartment or the luggage compartment under normal operation including the operation with a failure. This requirement is deemed to be satisfied if the vehicle is designed as to prevent such gases from being emitted directly into the passenger compartment and the luggage compartment. In this case, the compliance is verified by visual inspection and/or drawing analysis of the REESS installation. 5

6 Draft Proposal for Management of gas emitted from REESS Insert a new paragraph 3.XX, to read; 3.XX."Open-type traction battery" means a type of battery requiring filling with liquid and generating hydrogen gas that is released into the atmosphere. Insert new paragraphs 5.1.Y. (as part of “in-use” requirement), to read; 5.1.YDetermination of hydrogen emissions for open-type traction battery 5.1.Y.1.The test shall be conducted following the method described in Annex X to the present Regulation. The hydrogen sampling and analysis shall be the ones prescribed. Other analysis methods can be approved if it is proven that they give equivalent results. 5.1.Y.2.During a normal charge procedure in the conditions given in Annex X, hydrogen emissions shall be below 125 g during 5 h, or below 25 x t2 g during t2 (in h). 5.1.Y.3.During a charge carried out by a charger presenting a failure (conditions given in Annex X), hydrogen emissions shall be below 42 g. Furthermore the charger shall limit this possible failure to 30 minutes. 6


Download ppt "Proposal for Management of gas emitted from REESS 13-15 May, 2014 U.S. DOT Head Quarter 1200 New Jersey Avenue, SE Washington, DG 20590 JASIC 1."

Similar presentations


Ads by Google